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Letter Ruling (TAM) 200212001 may be helpful to certain U.S. multinational corporations

Main article: multinational corporations

  • ABB
  • ABN-Amro
  • Accenture
  • Aditya Birla
  • Affiliated Computer Services Inc
  • Airbus
  • Allianz
  • Altria Group
  • American Express
  • Akzo Nobel
  • Apple Inc.
 (MNCs) in limiting the amount of interest expense that otherwise may be apportioned ap·por·tion  
tr.v. ap·por·tioned, ap·por·tion·ing, ap·por·tions
To divide and assign according to a plan; allot: "The tendency persists to apportion blame as suits the circumstances" 
 to foreign-source income Foreign-source income

Income earned from international operations.
. A reduction in interest expense apportioned to foreign-source income should provide an MNC MNC

See: Multinational corporation
 with the ability to use additional foreign tax credits (FTCs).

In the TAM, the IRS An abbreviation for the Internal Revenue Service, a federal agency charged with the responsibility of administering and enforcing internal revenue laws.  determined that non-interest-bearing trade accounts receivable accounts receivable n. the amounts of money due or owed to a business or professional by customers or clients. Generally, accounts receivable refers to the total amount due and is considered in calculating the value of a business or the business' problems in paying  were closely associated with the production of income created by the sale of goods and services In economics, economic output is divided into physical goods and intangible services. Consumption of goods and services is assumed to produce utility (unless the "good" is a "bad"). It is often used when referring to a Goods and Services Tax.  (i.e., the accounts receivable were associated with income generated from the sale of goods and services). Accordingly, the Service concluded that the accounts receivable generated income from the sales of goods and services and were single-category assets under Temp. Regs. Sec. 1.861-9T(g)(3)(i).

In the taxpayer's particular facts, such sales were U.S.-source sales. Thus, the IRS determined that the accounts receivable were viewed properly as "U.S. assets" for purposes of determining the taxpayer's tax-basis balance sheet for interest-expense apportionment The process by which legislative seats are distributed among units entitled to representation; determination of the number of representatives that a state, county, or other subdivision may send to a legislative body. The U.S.  purposes.

The application of the Sec. 861 interest-expense apportionment rules to a taxpayer's accounts receivable may be considered under various scenarios. Accounts receivable might be viewed as:

* Assets without any identifiable yield and therefore excluded from the tax-basis balance-sheet equation for interest-expense apportionment purposes.

* Assets that generate interest income (assuming that they are interest-bearing). (Note: the accounts receivable in the TAM were non-interest-bearing. It is not apparent from the TAM whether interest-bearing accounts receivable would have changed the Service's conclusion.)

* Generating (or closely associated with) sales income, and thus considered to be either as U.S.-source assets or foreign-source assets, based on the type of sales income that generated the accounts receivable.

The TAM used the third approach when applying the interest-expense apportionment rules to determine the source of non-interest-bearing receivables.

Assuming the IRS follows the TAM for other taxpayers, the application of the TAM to a particular MNC's facts may provide a favorable result, which may be enhanced to the extent that the MNC's non-interest-bearing accounts receivable from Sec. 863(b) sales are paid in full by year-end.

In a number of factual situations, MNCs will make Sec. 863(b) sales to their foreign subsidiaries and will make other sales to a third party with U.S. title passage. To the extent that the foreign subsidiaries pay the accounts receivable in full by year-end, a larger proportion of receivables could potentially be U.S.-source-based receivables and U.S. assets for interest-expense apportionment purposes. Under this scenario, more interest expense should be apportioned to U.S.-source income.

FROM MARTIN J. COLLINS, J.D., CPA (Computer Press Association, Landing, NJ) An earlier membership organization founded in 1983 that promoted excellence in computer journalism. Its annual awards honored outstanding examples in print, broadcast and electronic media. The CPA disbanded in 2000. , WASHINGTON, DC
Editor:
Annette B. Smith, CPA
Partner
Washington National Tax Service
Princewaterhousecoopers
Washington, DC
COPYRIGHT 2002 American Institute of CPA's
No portion of this article can be reproduced without the express written permission from the copyright holder.
Copyright 2002, Gale Group. All rights reserved. Gale Group is a Thomson Corporation Company.

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Article Details
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Title Annotation:foreign tax credits
Author:Smith, Annette B.
Publication:The Tax Adviser
Geographic Code:1USA
Date:Jul 1, 2002
Words:447
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